Planning Documents. Any drawings or drafts etc. prepared by the Contractor pursuant to our requests shall become our property without us being additionally charged for it, regardless of whether they remain in the possession of the Contractor. Any statements made by the Contractor to the contrary or otherwise not in compliance with the aforesaid, for example, printed on the documents handed over to us, shall not be binding.
Planning Documents. The Owner agrees to conform to and comply with all requirements of the Official Plan and Zoning By-law that pertain to the subject lands.
Planning Documents. Planning documents that involve early Tribal collaboration and coordination are identified in the June 4, 2024, MOA signed. Additional efforts expected during the course of this Agreement include but are not limited to revising the Comprehensive Conservation Plan or equivalent; compatibility determinations for new and existing uses; and new plans as developed.
Planning Documents. 1. National Oil and Hazardous Substances Pollution Contingency Plan (“National Contingency Plan - NCP”): The Environmental Protection Agency (EPA) is the lead agency in drafting, and the Coast Guard and EPA are jointly responsible for implementing, the NCP which governs actions concerning spill response and cleanup for Federal, State, local agencies, responsible parties, clean-up contractors and others participating in such actions in United States waters.
Planning Documents. In addition to involvement in the Conservation Management Plan for Rangitoto, Motutapu, Motuihe and Motukorea Motu (“Motu CMP”) as set out in the Nga Mana Whenua o Tamaki Makaurau settlement legislation, the Department and Nga Mana Whenua will meet to identify and seek to address issues affecting Nga Mana Whenua at an early stage (before public consultation, if any, and throughout the process) in the preparation, review or amendment of any other statutory planning document within the Tamaki Makaurau Region.
Planning Documents. Operator will be provided copies of all related assessor documents including parcel maps, subdivision agreements, CC&R’s and joint use agreements with co-located school.
Planning Documents. The California Community School Partnership Program (CCSPP) Implementation Round 4 Grant Request for Application (RFA) is expected to include several school site-specific requirements (as seen in Round 3), including:
1. An Implementation Plan that must include (1) documentation that describes each school’s commitment to implement core principles, including the Cornerstone Commitments identified in the CA Community Schools Framework; (2) goals and activities and a description of how progress towards goals will be measured (i.e., SMART goals); and (3) a staffing plan that describes the establishment of a Community School Coordinator to work with steering committees, key staff, and partners within the school to execute the CCSPP Implementation Plan.
Planning Documents. The annual business plan and contract amendment will be submitted to Mr. Xxxxxx Xxxxx xx Visio. If there is any deviation from these plans or contract terms, written approval will be required from Visio.
Planning Documents. The expenses identified in the Definitive Feasibility Study on the date thereof represented and upon their delivery and approval in accordance with this Agreement, the Planning Documents will, represent the Borrower’s best estimate of projected expenses and schedule for the period covered thereby at the time the Planning Documents were prepared or at the time revised, replaced, supplemented, modified or amended in accordance with this Agreement.
Planning Documents. The files of CACFA are full of an unbelievable number of planning documents provided by the Federal agencies. Some are required by ANILCA and others by the agencies own policies and other applicable Federal laws. The result is, however, beyond comprehension by the general public. An endless array of planning documents is continually thrown at Alaskans in various forms and through numerous electronic and printed mechanisms. It is virtually impossible to keep up with every phase of their process. We all recognize that it is important to participate in the agency planning processes because of the need to place things on the record. Subsequent court cases over critical issues can and are lost due to the lack of participation by the public as the process progresses. In addition, it is extremely difficult for someone in one region to keep up with the review and comment requirements for their region with little or no time devoted to other regions and sister agencies that could, by policy or regulation, set a bad precedent for their area as well. Commercial operators that have a vested interest in the outcome of specific planning processes are much better represented in this effort than the general public. CACFA was twice created to assist the public in the process of dealing with the Federal management programs. In addition, ANILCA teams and assigned staff within the State agencies have tried to keep abreast of these various planning efforts. With all due respect to the staff of CACFA, they are swamped most of the time and need additional support which I will address later.